7 June 2026 · Switzerland
Switzerland has no comprehensive AI statute but has signed the Council of Europe Framework Convention (CETS No. 225) and enforces robust automated-decision obligations under Article 21 of the revised FADP. FINMA imposes AI explainability requirements on financial services. This guide maps what applies to operators active in or supplying into Switzerland.
7 June 2026 · Mexico
Mexico has no dedicated AI statute but LFPDPPP automated-decision rights, INAI enforcement, CNBV technology-risk circulars, and USMCA Chapter 19 digital trade obligations create a layered compliance environment. This guide maps the current framework and what operators deploying in Mexico must prepare for.
4 June 2026 · Cross-Jurisdictional
An AI agent serving customers in multiple countries does not automatically fall under one liability regime. Rome II, Brussels I Recast, and the EU AI Act's extraterritorial reach create overlapping frameworks. This guide maps the conflict-of-laws analysis for operators deploying AI across national boundaries.
1 June 2026 · OECD
The 2024 revision added security and information integrity as explicit principles, expanding the original five-principle set to seven. This guide explains all seven, maps them to binding regulation in the EU, UK, and Singapore, and explains how multinationals use the Principles as a cross-jurisdictional governance baseline.
27 May 2026 · India
India's DPDPA 2023, sector guidance from RBI and SEBI, and the National AI Mission create a distinct operator landscape. A structured guide to what applies now and how to position for India's accelerating regulatory trajectory.
22 May 2026 · Standards
ISO/IEC 42001:2023 is the first certifiable international AI management system standard. It provides a governance structure that satisfies the EU AI Act's Article 17 QMS requirement, earns a Colorado SB 24-205 safe harbour, and directly reduces AI liability insurance premiums. A jurisdiction-by-jurisdiction operator's guide.
11 May 2026 · Korea
South Korea's AI Basic Act applies from August 2026. High-impact AI in employment, healthcare, finance, and criminal justice faces transparency, oversight, and documentation obligations parallel to the EU regime. A structured guide for cross-border operators.
4 May 2026 · Japan
Japan enacted a principles-based AI framework in May 2024. It does not mirror the EU AI Act's risk tiers or enforcement architecture. This guide maps what the Act, METI sector guidelines, Japan AISI, and the APPI framework require for operators with Japanese market exposure.
4 May 2026 · Latin America
Brazil's Senate-approved AI framework establishes three risk tiers with significant operator obligations and applies extraterritorially. What European and global operators with Brazilian market exposure need to know.
28 April 2026 · United Kingdom
The UK has no horizontal AI Act. It assigns AI oversight to existing sector regulators through five cross-sectoral principles. This analysis maps what the FCA, ICO, CMA, and AISI each require, and how the UK framework diverges from the EU AI Act in practice.
April 2026 · Comparative
Article 2 of Regulation (EU) 2024/1689 draws non-EU operators into the regime through five routes, including the widely misunderstood output-used-in-the-Union trigger. What US and UK companies must assess before August 2026.
April 2026 · United States
A reading of SB 24-205 as it enters force on 1 February 2026. The duty of care, the algorithmic discrimination standard, the risk management programme, and the comparison with the EU AI Act.
April 2026 · United States
Why a voluntary federal framework is becoming the benchmark courts, regulators, and contracts use to define whether an operator acted reasonably when deploying an autonomous agent.
April 2026 · Comparative
A structured comparison of how the three largest regulatory spheres are allocating responsibility across the AI supply chain. Horizontal statute, revised products regime, and sectoral regulator leadership.
April 2026 · Asia-Pacific
Singapore's AI Verify, Japan's AI Promotion Act, Korea's AI Basic Act, and why the region's softer-law approach is setting de facto standards many US and EU deployers will follow.